The US state of Massachusetts has issued an emergency regulation to its Solar Massachusetts Renewable Target (SMART) programme, that includes doubling the PV capacity it seeks to help deploy as well as mandating the addition of energy storage on projects over 500kW.
In a move that national trade body Solar Energy Industries Association (SEIA) said will “help stabilise the solar industry” during the difficult period of the COVID-19 crisis, Massachusetts Governor Charlie Baker and other policy makers announced on 14 April a set of revisions to the existing programme. SMART will now support 3,200MW of new solar generating capacity, instead of 1,600MW, the revised document reads.
Under the SMART programme, solar power system owners in the Commonwealth of Massachusetts receive fixed rate payments for the solar energy they produce based on the kilowatt-hours of power produced. Those agreements last 10 years and vary based on system size, with owners of smaller systems receiving a little more than double what larger systems get, per kilowatt-hour.
Electric distribution company service areas are each set an amount of capacity eligible for awards. This was originally set in proportion to the electrical load served to customers in their services areas in 2016, but the revision now states that the energy department may update that capacity based on updated data as becomes available.
The emergency revision includes various other provisions, including set-asides for at least 5% of available capacity in each awarded ‘capacity block’ to go to low-income community areas. Low-income area projects also receive the highest compensation rates under the programme. Also added were provisions to enable mid-sized and community projects of between 25kW and 500kW, as well as provisions favouring floating solar installations and solar canopies.
Under the SMART programme, an extra ‘energy storage adder’ incentive can be triggered if solar projects – described as Solar Tariff Generation Units for the purposes of the scheme – are co-located with an energy storage system that has a nominal rated power capacity of more than 25% of the solar system. Perhaps most striking of the other revisions is the requirement that Solar Tariff Generation Units >500kW that apply for the SMART incentives now have to be co-located with an energy storage system.
Recent Comments